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FOREIGN PROFITS


Peter Maybrey and Peter Cussons, tax partners, PricewaterhouseCoopers LLP, discuss the impact of the proposals set out in the 21 June 2007 discussion document on the taxation of foreign profits of companies

Card image Jonathan Bridges Liesl Fichardt Chris Morgan

Chris Morgan, Partner, Head of International Corporate Tax Group, KPMG, Jonathan Bridges, KPMG EU Tax Group and Liesl Fichardt, Partner, Dorsey & Whitney write on the FII GLO ECJ judgment

Roopa Aitken, international tax director, and Danny Beeton, head of transfer pricing at Grant Thornton, discuss the tax and transfer pricing considerations for companies expanding overseas

Jan Werbrouck, Partner and Brent Springael, Associate, Brussels office of Benelux law firm NautaDutilh, discuss a recent development in Belgian tax law

Nick Udal, International Tax Partner and Allan Cinnamon, International Tax Consultant, BDO Stoy Hayward LLP, London, provide us with up-to-date information on the preferred European holding company location

Card image Giuseppe Totino Alastair Munro Alastair Munro

Alastair Munro and Giuseppe Totino of KPMG's International and Finance Tax Group consider the current state of the UK's double tax relief (DTR) regime

With current UK economic uncertainty, now would be a good time to look elsewhere and explore opportunities in foreign markets. Central and Eastern European countries could offer some attractive possibilities. Ross Welland of Horwath Clark Whitehill and Jan Lamac of TPA-NOTIA Prague consider the Czech Republic as a location for cross-border expansion

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